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Comment for Proposed Rule 75 FR 67258

  • From: Lucas Sharp
    Organization(s):

    Comment No: 27011
    Date: 12/1/2010

    Comment Text:

    From: Lucas Sharp [mailto:[email protected]]
    Sent: Wednesday, December 01, 2010 4:46 PM
    To: dfadefinitions
    Subject: Re: No loopholes in Dodd-Frank




    Plutonomies exist, and explain much of the world’s imbalances. Please help the middle class, its in everybody who cares about America's best intrest.

    1) Securities and Exchange Commission/Commodities Futures Trading Commission, Re: Commercial Risk (CFTC RIN 3235-AK65, SEC File Number S7-12-10)

    Dear Commissioners Shapiro and Gensler: Don’t let the American Bankers Association (ABA) redefine important terms like “commercial risk” to keep banks that engage in risky derivatives trading from complying with transparency and business conduct requirements. Commercial risk should not be expanded to include financial risk. Accepting the ABA argument would open the door for exemptions for risky hedge funds and insurance companies.

    2) Commodities Futures Trading Commission, Re: Position Limits (RIN 3038–AD17 )

    Dear Commissioner Gensler: The CFTC needs to set strong position limits to crack down on the energy and food commodity speculation that serves no productive purpose. I urge the Commission to define limits that will address not only manipulation, but also excessive speculation, which will require a stricter approach.

    3) U.S. Department of the Treasury, Re: FX Swaps (75 FR 66426 Document Number 2010-27274)

    Dear Secretary Geithner: Just say “no” to foreign exchange traders who want to exempt foreign currency derivatives from the clearing and transparency requirements of the
    Dodd-Frank Act. $4 trillion dollars a day is traded in these highly-leveraged swaps and this number may increase to over $10 trillion in a decade. As the head of the Financial
    Stability Oversight Board your job is to decrease risk in the system, not encourage off-book trading and opaque markets.

    Lucas Sharp
    176 E 2nd Street #3B
    New York, NY 10009

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